Soto v. Commercial Recovery Systems, Inc. et al

Filing 102

STIPULATION AND ORDER EXTENDING DEADLINE TO FILE OPPOSITION AND REPLY TO PLAINTIFF'S MOTION FOR LEAVE TO FILE A FIRST AMENDED COMPLAINT re 98 Stipulation filed by Commercial Recovery Systems, Inc. Signed by Judge Phyllis J. Hamilton on 12/12/11. (nah, COURT STAFF) (Filed on 12/12/2011)

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1 2 3 4 5 6 7 Elizabeth A. Skane (State Bar No. 187752) Jennifer McCune (State Bar No. 160089) SKANE & WILCOX LLP 33 New Montgomery St., Ste. 710 San Francisco, CA 94105 Telephone: (415) 431-4150 Fax: (415) 431-4151 eskane@skanewilcox.com jmccune@skanewilcox.com Attorneys for Defendant COMMERCIAL RECOVERY SYSTEMS, INC. 8 9 UNITED STATES DISTRICT COURT 10 NORTHERN DISTRICT OF CALIFORNIA 11 12 13 14 15 16 17 18 19 ) ) ) Plaintiff, ) ) vs. ) ) COMMERCIAL RECOVERY SYSTEMS, INC., ) ) CHASE HOME FINANCE LLC, ) ) Defendants. ) ) ) Case No.:C 09 02842 PJH JORGE SOTO STIPULATION AND [PROPOSED] ORDER EXTENDING DEADLINE TO FILE OPPOSITION AND REPLY TO PLAINTIFF’S MOTION FOR LEAVE TO FILE A FIRST AMENDED COMPLAINT 20 21 22 23 24 25 26 27 28 WHEREAS, Plaintiff filed a Motion for Leave to File First Amended Complaint set to be heard on February 1, 2012. WHEREAS, the court set the date for response on December 7, 2011 and the date for reply on December 14, 2011. WHEREAS, following the Court’s recent ruling on the motion to certify the class, the parties are engaged in settlement discussions and would like an extension of the briefing schedule on Plaintiff’s Motion for Leave to File First Amended Complaint to complete the settlement discussions; STIPULATION AND [PROPOSED] ORDER EXTENDING DEADLINE FOR RESPONSE AND REPLY TO PLAINTIFF’S MOTION FOR LEAVE TO FILE A FIRST AMENDED COMPLAINT (Case No. C0902842 PJH) 1 1 2 3 4 WHEREAS, the parties stipulate that CRS shall have until December 14, 2011 to file its response and Plaintiff shall have until December 21, 2011 to files its reply. SO STIPULATED. Dated: December 5, 2011 LAW OFFICE OF WILLIAM E. KENNEDY 5 By: 6 7 __/s/______________________________________ William E. Kennedy Attorneys for Plaintiff JORGE SOTO and the Proposed Classes 8 9 Dated: December 5,2011 10 SKANE WILCOX LLP By: 11 12 __/s/______________________________________ Jennifer McCune Attorneys for Defendant Commercial Recovery Systems, Inc. 13 ATTESTATION PURSUANT TO GENERAL ORDER 45 14 Jennifer McCune, attests that concurrence in the filing of this document has been 15 obtained from the other signatories. 16 I declare under penalty of perjury that the foregoing is true and correct. 17 Executed on December 5, 2011 at San Francisco, California. 18 19 Dated: December 5, 2011 SKANE WILCOX 20 By: 21 22 __/s/______________________________________ Jennifer McCune Attorneys for Defendant Commercial Recovery Systems, Inc. 23 ORDER 24 __________________________________ ERED O ORD IT IS S Hon. Phyllis J. Hamilton NO hyllis J. Hamilton R NIA 12/12/11 Date: _______________ S DISTRICT TE C TA H FO LI RT Judge STIPULATION AND [PROPOSED] ORDER EXTENDINGP DEADLINE FOR RESPONSE AND REPLY TO ER PLAINTIFF’S MOTION FOR LEAVE TO FILE A FIRST AMENDED COMPLAINT (Case No. C0902842 PJH) C N F A 28 December 21, 2011. RT U O 27 Leave to File a First Amended Complaint is December 14, 2011 and Plaintiffs’ reply deadline is S 26 Pursuant to stipulation, CRS's deadline for filing a response to Plaintiff’s Motion For UNIT ED 25 D IS T IC T O R 2

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